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SCENARIO Please use the following to answer the next question: T-Craze, a German-headquartered specialty t-shirt company, was successfully selling to large German metropolitan cities. However, after a recent merger with another German-based company that was selling to a broader European market, T-Craze revamped its marketing efforts to sell to a wider audience. These efforts included a complete redesign of its logo to reflect the recent merger, and improvements to its website meant to capture more information about visitors through the use of cookies. T-Craze also opened various office locations throughout Europe to help expand its business. While Germany Target, a renowned marketing firm based in the Philippines, to run its latest marketing campaign. After thorough research, Right Target determined that T-Craze is most successful with customers between the ages of 18 and 22. Thus, its first campaign targeted university students in several European capitals, which yielded nearly 40% new customers for T-Craze in one quarter. Right Target also ran subsequent campaigns for T- Craze, though with much less success. The last two campaigns included a wider demographic group and resulted in countless unsubscribe requests, including a large number in Spain. In fact, the Spanish data protection authority received a complaint from Sofia, a mid-career investment banker. Sofia was upset after receiving a marketing communication even after unsubscribing from such communications from the Right Target on behalf of T-Craze. What is the best option for the lead regulator when responding to the Spanish supervisory authority's notice that it plans to take action regarding Sofia's complaint?
Correct Answer: B
According to the Free CIPP/E Study Guide, page 16, "the GDPR provides for a one-stop-shop mechanism, which means that a controller or processor with establishments in several Member States will have only one supervisory authority as its interlocutor, which will act as the lead authority. However, this does not mean that the lead authority has exclusive competence to supervise all processing activities of the controller or processor throughout the EU. The GDPR also allows for the possibility of a relevant and reasoned objection by a concerned supervisory authority, which may trigger the consistency mechanism and the involvement of the European Data Protection Board (EDPB). Moreover, the GDPR recognizes the right of any supervisory authority to adopt urgent measures on its own territory or to commence legal proceedings before a court in its Member State in order to protect the rights and freedoms of data subjects." Therefore, the lead regulator should accept the Spanish supervisory authority's notice that it plans to take action regarding Sofia's complaint, as the GDPR permits non-lead authorities to take action for such complaints, especially when they involve urgent measures or legal proceedings to protect the data subjects' rights and freedoms. The other options are incorrect, as they do not reflect the GDPR's provisions on the one-stop-shop mechanism and the cooperation and consistency mechanisms. Reference: Free CIPP/E Study Guide, page 16 GDPR, Articles 56, 60, 61, 62, 63, 64, 65 and 66